12329905 Canada Ltd. v. The King

12329905 Canada Ltd. v. The King

The court held that the 'particular time' for assessing the owner's reasonable expectation can be before legal title transfer and during interim occupancy (including at lease formation); confining assessment only to the title transfer date would render the statutory 'reasonable expectation' requirement meaningless...

Source-derived case information.

Citation
2024 TCC 115
Parties
Appellant: 12329905 CANADA LTD.; Respondent: His Majesty the King
Court
Tax Court of Canada
Jurisdiction
Canada
Judgment Date
3 September 2024
Procedural Posture
Tax Court of Canada Appeal (excise Tax Act GST Rebate) / Reasons for Judgment (appeal Heard May 30, 2024; Judgment Sept 3, 2024)
Outcome
Appeal allowed; assessment set aside and referred back to the Minister for reconsideration and reassessment on the basis that the Appellant acquired and leased a qualifying residential unit under s.256.2 of the Excise Tax Act.
Legal Topics
New Residential Rental Property Rebate, Qualifying Residential Unit Definition, Interim Occupancy, Reasonable Expectation of First Use, Timing of Tax Liability
Source Language
en
Tax Law Goods and Services Tax (gst) Statutory Interpretation Property/condominium Law New Residential Rental Property Rebate Qualifying Residential Unit Definition Interim Occupancy Reasonable Expectation of First Use +1 more

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Parties

12329905 CANADA LTD.

Appellant

His Majesty the King

Respondent

Procedural Posture

Tax Court of Canada Appeal (excise Tax Act GST Rebate) / Reasons for Judgment (appeal Heard May 30, 2024; Judgment Sept 3, 2024)

  1. 1 Whether the condominium unit qualifies for the new residential rental property rebate under s.256.2 of the Excise Tax Act
  2. 2 What is the 'particular time' at which an owner's reasonable expectation regarding the first tenancy must be assessed
  3. 3 Whether interim occupancy and expectation at lease formation can satisfy the 'reasonable expectation' requirement when title transfers after first tenant vacates

Ratio Decidendi

The court held that the 'particular time' for assessing the owner's reasonable expectation can be before legal title transfer and during interim occupancy (including at lease formation); confining assessment only to the title transfer date would render the statutory 'reasonable expectation' requirement meaningless and defeat the legislative purpose of incentivizing long-term rentals, so the refusal of the rebate was set aside and the assessment referred back to the Minister for reconsideration on the basis that the unit qualified.

Court Disposition

Appeal allowed; assessment set aside and referred back to the Minister for reconsideration and reassessment on the basis that the Appellant acquired and leased a qualifying residential unit under s.256.2 of the Excise Tax Act.

Orders

  • The appeal of the assessment dated June 9, 2022 in respect of the Appellant’s entitlement to a new residential rental property rebate under section 256.2 of the Excise Tax Act is allowed and the assessment is referred back to the Minister of National Revenue for reconsideration and reassessment on the basis that the...
  • There shall be no costs.